HOUSE SPRINGS, MO —
OSHA Inspection: OPEN DOOR ANIMAL SANCTUARY
Complaint inspection · Health discipline
At a glance
On , OSHA opened a complaint health inspection of OPEN DOOR ANIMAL SANCTUARY in 6065 DUDA RD., HOUSE SPRINGS, MO 63051 (NAICS 541940). OSHA activity number 343153557.
Where did this inspection happen?
- Establishment
- OPEN DOOR ANIMAL SANCTUARY
- Site address
- 6065 DUDA RD.
- City
- HOUSE SPRINGS
- State
- MO
- ZIP
- 63051
- Mailing
- P.O. BOX 870, HOUSE SPRINGS, MO 63051
What kind of inspection was it?
- Inspection type
- Complaint (B)
- Scope
- Complete (A)
- Discipline
- Health
- Advance notice
- No
- Union status
- B
When did the case open and close?
- Opened
- Closing conference
- Case closed
- Last modified
- Data loaded
Establishment context
- NAICS code
- 541940
- Employees
- 30
- Ownership type
- A
Citations
2 citations on file for this inspection.
1910.132 D01
- Issued
- Abate by
- Penalty
- Initial $0.00 · Current $0.00
General-duty citation text
29 CFR 1910.132(d)(1): The employer did not assess the workplace to determine if hazards are present, or are likely to be present, which necessitate the use of personal protective equipment (PPE): Where personal protective equipment (PPE), including eye protection and gloves were provided and necessary for work performed, such as cleaning with chemical products and cleaning equipment, such as litter containers, a comprehensive hazard assessment was not completed and documented (see 1910.132(d)(2)), with training then provided to employees on what PPE is required to be used for specific tasks. Abatement documentation is required for this violation.
Recent events (1)
- — Z (O) $0
1910.1200 E01
- Issued
- Abate by
- Penalty
- Initial $0.00 · Current $0.00
General-duty citation text
29 CFR 1910.1200(e)(1): The employer did not develop, implement, and/or maintain at the workplace a written hazard communication program which describes how the criteria specified in 29 CFR 1910.1200(f), (g), and (h) will be met: Where cleaning chemical products were used a comprehensive chemical hazard communication program was not developed, written, and implemented, including ensuring all secondary containers were labeled with the identification and hazard warning, ensuring all safety data sheets were available and kept in a manner with an index preceding the data sheets so that they were readily available, and training, including the hazards of the chemical products used, and what PPE was required, if any, when using products. The training must also include updated labeling requirements with pictograms, and the change to safety data sheets (SDS) from material safety data sheets (MSDS). Abatement documentation is required for this violation.
Recent events (1)
- — Z (O) $0
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Source
This record is reproduced from the U.S. Department of Labor Open Data API (OSHA inspection dataset). The original IMIS detail view is available at OSHA's Establishment Search for activity number 343153557.